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Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits By: Michael Turner, Ph.D., Robin Varghese, Ph.D., Patrick Walker, M.A. and Katrina Dusek, M.A. Research Assistance: Adam Rodman Results and solutions March 2009 Copyright: © 2009 PERC Press. Chapel Hill, North Carolina. USA All rights to the contents of this paper are held by the Political & Economic Research Council (PERC). No reproduction of this report is permitted without prior express written consent of PERC. To request hardcopies, or rights of reproduction, please call: +1 (919) 338-2798 x803. March 2009 Credit Reporting Customer Payment Data Impact on Customer Payment Behavior and Furnisher Costs and Benefits By: Michael Turner, Ph.D., Robin Varghese, Ph.D., Patrick Walker, M.A. and Katrina Dusek, M.A. Research Assistance: Adam Rodman Acknowledgements e authors wish to thank the following people and organizations for their contributions to and support of this study: Bob Ryan and Eric Rosenberg of TransUnion; Tony Hadley, Debbie Morita, Donna Smith, Mike Hall and Bill Butler of Experian; Clark Abrahams of SAS; Paul Mara, Paul DeSaulniers and Steven Emmert of LexisNexis; Jennifer Tescher and Arjan Schutte of CSFI; Gwendolyn Robinson and Windy Oliver of GE; Carmen Hearn of HSBC; Mark Birkhead and Gopi Tammana of Citi; Walter Wojciechowski of MicroBilt Corporation and Michael Nathans of the PRBC division of MicroBilt; and e Brookings Institution. We also wish to thank Julie Londo of DTE Energy and David Lukowicz of Nicor Gas for allowing us to tell their companies’ stories to evidence the case for reporting alternative data, and Jim Linn of the American Gas Association and Becky Harsh of Edison Electric Institute”. Table of Contents Executive Summary and Key Findings 6 I. Introduction 9 II. Business Case for Fully Reporting to Bureaus 13 a. Broad issues for non-nancial full-le reporters 13 b. Why non-nancial data providers need not fear cream skimming/poaching 16 III. General Findings From the Survey of Firms 17 a. What Data is Reported and to Whom? 17 I V. Survey Results by Companies that Currently Report to a Bureau 19 a. Which Companies are Reporting and Why? 19 b. Overall Costs, Benets, and Satisfaction 22 c. e Benets 24 d. e Costs and Diculties 25 e. e role of Customer Communication 29 V. e Case of NICOR Gas 31 a. Why Do they Report? 31 b. Costs and Diculties 32 c. Customer Education and Communication 33 d. e Benets to the Company 33 e. External Benets to Consumer 34 f. Nicor Gas’ Legacy 34 VI. e Case of DTE ENERGY 35 a. e DTE Energy Story 35 b. Process and Costs 35 c. Diculties 36 d. Benets 36 e. Lessons Learned 39 VII. Companies that Do Not Report 40 VIII. Customer Survey 44 Awareness of Reporting 44 Bill Payment Priorities 46 Payment Reporting and Behavior Changes 47 Key Findings from Customer Survey 50 IX. Facts and Myths of Reporting 51 X. Road Ahead, How to Report 54 XI. Conclusion 58 Appendix A: Overview and Methodology Data Furnisher Survey 60 a. Limitations 60 b. Types of Companies that Responded 61 Appendix B: Overview and Methodology of Customer Survey 64 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benets 6 Executive Summary and Key Findings is report examines the perceived and actual costs and benets of full-le credit reporting by nonnancial service providers, such as telecommunications companies and utilities, and assesses its impact on customer payment behavior. Full-le credit reporting sends both timely and late payment information to a consumer credit bureau. PERC surveyed energy utility and telecommunications companies and more than 1,000 con- sumers. On the basis of responses from 70 companies and more than 900 heads of household with primary or joint responsibility for paying bills, and two case studies of large energy utility rms that report full-le payment data, PERC draws the following conclusions: 1 An example of a cooperative is the National Consumer Telecom and Utilities, Exchange (NCTUE). e data in the NCTUE is used help telecoms and utilities set deposit amounts and locate customers that have unpaid balances, among other uses. Data in FCRA-regulat- ed consumer credit reporting databases, on the other hand, are part of consumers’ credit histories and can enter their credit scores. Most customers did not even know that mort- gages and auto loan payments were reported, highlighting the importance of customer com- munication for companies that decide to report customer payments. Data must be included in a credit le to fully » motivate payment behavior changes: Simply reporting payment data to a credit bureau is insucient. Data furnishers must make sure the data is included in an FCRA regulated con- sumer credit database. A major bureau already collects negative payment data from energy util- ity and telecom rms, but uses it for non-credit purposes. To fully motivate customers, the data needs to be included in consumer credit les. From the customers’ perspectives… Customers conrm that credit reporting alters » payment behavior: One-half of all consumers surveyed indicated they would be more likely to pay their nonnancial service obligation on time—even during economic duress—if those payments were fully reported to one or more national credit bureaus and consumer reporting agencies and impacted their credit scores. Approximately 35 percent of respondents indicated they would be much more likely to pay on time, 15 percent would be more likely to pay on time, while 45 percent would remain unchanged. Many customers are unaware of which of their » obligations are reported: 44% of consumers did not know if energy utility payments were reported and only 28% thought they were not. PERC March 2009 7 From the rms’ perspectives… Firms that fully report see changed consumer » payment behavior: Consistent with results from the consumer survey, the survey of rms and the two case studies reveal that customers are more likely to pay on time when they are aware that their personal credit standing will be aected by their payment actions. As the DTE Energy case study makes clear, customer payment behavior will change only when they are aware that their payments are being reported to credit bureaus. For most, benets of credit reporting greatly ex- » ceed costs: All rms that fully report customer payment data say that the benets of reporting are at least equal to the costs of reporting. Ap- proximately 14 percent of respondents indicated that benets were between two and ve times greater than costs, 29 percent reported benets were between ve and ten times greater than costs, and 29 percent reported the benets exceed costs by at least a multiple of ten. Firms that credit report are overwhelmingly » satised with experience: No respondents were dissatised with their experience of credit reporting. Approximately one-fourth were “neutral or mixed” about their experience, and approximately three-fourths were either “some- what satised” or “very satised.” Firms overestimate perceived costs of credit » reporting: e primary reasons rms did not credit-report were assumed technology (IT) and customer service costs. Yet, among those rms that actively credit-report, all indicated that IT and customer service costs were either small (between 5 and 15 percent of the IT or customer service budget) or minimal or no costs (less than 5 percent of the IT or customer service budget). Greatest perceived challenges involve so costs: » When asked to rank the diculty of implemen- tation issues, rms currently fully reporting to one or more credit bureaus ranked “developing internal policy” and “educating consumers” as by far the two greatest challenges. ey rated technological, legal, and regulatory issues as moderate or relatively moderate challenges. Customer communication is important to fully » realizing benets: Among rms reporting equal costs and benets, one-half did not communi- cate with customers at all. e majority indicat- ing that credit reporting benets were greater than costs frequently communicated to their customers in various ways, usually monthly in a billing statement. As our consumer survey makes clear, consumers are generally unaware which industries report payments and, appar- ently, they are unaware of payment reporting in general. erefore, customer communication is key to reaping the full benets of payment reporting. Customers unaware of payment reporting will not alter their behavior. Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benets 8 From the borrowers’ perspective… Many customers become scoreable when » payments are fully reported: DTE Energy’s case study conrms that many of that utility’s customers obtained a credit le and/or became scoreable due to its fully reporting of customer payments. 127,126 of its customers, or 6.2% of its accounts, were able to be scored for the rst time when reporting began. Of new utility accounts opened the following year, an additional 9,117 new customers gained credit scores because of DTE’s full-le reporting. Having a credit score is crucial when accessing mainstream aordable credit. PERC March 2009 9 I. Introduction How can consumers be encouraged to put their utility and telecommunication bills at the top of the payment pile? Bucking the trend of increasing delinquency and write-os requires a multifaceted strategy, ranging from expanded payment options and opportunities to using agents, utility discon- nections, and legal action. e foundation of any new strategy, however, should be grounded in a single solution—reporting both positive and nega- tive payment data to credit bureaus and consumer reporting agencies. By holding consumers account- able for their actions, by rewarding positive pay- ment behavior and noting delinquencies on credit reports, utilities have signicantly limited slow payment and uncollectible debts. e rise in uncollectible consumer debt and delinquencies is a major concern of utility and telecommunication service companies. In 2004, Chartwell reported that utility companies wrote o $1.6 billion annually, an equivalent of about $8 per customer. 2 Today, utilities continue to lose leverage as utility disconnections rise in dozens of states. New York has seen a 17 percent increase in service disconnections, and Michigan has seen a 22 percent increase, for example. 3 An October 2008 national survey of consumers conducted by the Online Resources Corporation (ORC) re- vealed that 9 percent of surveyed households were more than 30 days late on a utility bill, up sharply from an October 2007 survey. 4 Furthermore, 5 percent of those in the 2008 survey had had their utilities shut o for nonpayment. All indications are that the outlook for utility collections in the near term will not improve signicantly. e National Mortgage Bankers Association reported record high delinquencies and foreclosures for the third quarter of 2008. It estimates that 10 percent of all mortgage loans are one to three months delinquent or in foreclosure. 5 2 e original source for the amount written o is from proprietary research by Chartwell, Inc., from the report “Credit and Collections in the Utility Industry 2004 .” (Chartwell, 2004), this gure was referenced by Peace CIS in the 2004 white paper “Utility Collections Best Practices” available at http://www.peace.com/whitepapers/basscollectionswhitepaper.pdf. 3 Associated Press Newswire, “In Bad Economy, Power Cutos Soar,” October 6, 2008. 4 Online Resources Corporation, “Short on Money, Will Your Customers Pay Your Bill? Updated Survey of U.S. Households and Bills ey Pay.” (CITY: ORC, December 2008), available online at www.orcc.com. 5 National Mortgage Banker Association, “Delinquencies Increase, Foreclosure Starts Flat in Latest MBA National Delinquency Survey.” Press Release, December 5, 2008. Available at http://www.mbaa.org/NewsandMedia/PressCenter/66626.htm Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benets 10 In addition, by February 2009, unemployment had risen to a 25-year high of 8.1 percent, reecting a loss of about 4.4 million jobs since January 2008. 6 Faced with rising economic pressures, more households are forced to prioritize bills for pay- ment. A recent study by Experian, one of the three large national credit bureaus, nds that consum- ers tend to choose to be late on some obligations and not on others rather than being late on all. 7 e study was based on 3.2 million credit records that also had payments reported by telecommu- nications, energy utility, and cable companies. It found mixed priorities between energy utility, telecoms, cable, and other creditors. e study also found that companies could inuence consum- ers who had some capacity to pay non-prioritized bills. In a direct comparison between bank card obligations and utilities (including energy utility, telecoms, and cable obligations), only 12 percent of the four in ten consumers with derogatories on either chose to be delinquent on both bank card and utilities obligations; 32 percent chose to be delinquent on their bankcard obligations alone, and 56 percent chose to be delinquent on their utility obligations alone. erefore, most chose to prioritize one obligation over another, and most chose to pay bank card obligations rst. Experian’s ndings indicate up to 40 percent of slow-paying utility and telecom consumers have no or fewer than three derogatory accounts on their credit report. Although these consumers have not been paying their utility, telecoms, and cable bills, they have remained relatively current on other obligations. Clearly, consumers are making a choice not to pay their utility or telephone bill on time while paying other obligations rst. e October 2008 ORC survey, along with two earlier surveys by ORC, nds that customers placed utilities in the middle of a ranking of bills they would not pay if they lacked the funds to pay all of eight types of bills. ey would pay loans, insurance, and mortgages obligations before paying utilities, with roughly 8.5 percent of consumers indicating that they would not pay their utility bill. Phone bills were essentially tied with credit cards as the obligation least likely to be paid. Interestingly, between October 2007 and October 2008, the share indicating they would choose not to pay their phone bill rose from ap- proximately 20 percent to approximately 26 percent, while the share choosing not to pay credit cards fell from approximately 34 percent to approximately 27 percent. Consumers would most oen choose to pay their mortgage, with only approximately 2 percent of consumers indicating they would not pay their mort- gage if they experienced cash ow problems 8 . 6 Bureau of Labor Statistics, “Employment, Hours, and Earnings from the Current Employment Statistics survey (National).” Databases, Tables, and Calculators tool. (Washington, DC: BLS, 2009), available at http://data.bls.gov/PDQ/servlet/SurveyOutputServlet?data_ tool=latest_numbers&series_id=CES0000000001&output_view=net_1mth. 7 Experian, “Consumer Payment Behavior toward Telecommunications, Energy, and Cable Credit Grantors.” White paper. Available at http://www.experian.com/whitepapers/tec_wp.pdf 8 Online Resources Corporation, “Short on Money, Will Your Customers Pay Your Bill? Updated Survey of U.S. Households and Bills ey Pay.” (ORC, December 2008), available online at www.orcc.com. [...]... Data Furnisher s Survey Responses 21 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits b Overall Costs, Benefits, and Satisfaction Of course, the above responses speak to the relative benefits accrued compared to costs, not the magnitudes of costs, benefits, and net -benefits Nonetheless, the responses indicate that a firm should expect benefits. .. regularly reporting customer payment behavior to one or more credit bureaus or consumer reporting agencies In a small number of cases, owing to struc- Fair Credit Reporting Act 15 U.S.C § 1681 See in particular § 623 “Responsibilities of furnishers of information to consumer reporting agencies.” 10 13 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits. .. Manager of Customer Care Services and Credit, Nicor Gas, March 2008 Statement by Marcia Johnston of Verizon at the “Roundtable on Using Alternative Data Sources in Credit Scoring: Challenges and Opportunities,” Asset Builders of America and The Brookings Institution, December 15, 2005 12 13 Op cit 15 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits. .. Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits The report proceeds as follows: Section 2 makes the business case for nonfinancial firms to fully report customer payment data to credit bureaus and consumer reporting agencies, a practice commonly referred to as credit reporting. ” We present variables for executives to consider when conducting internal... reporting 22 Jan 04 Online Accessed 26 Aug 06: http://www.eyeforenergy.com/ news.asp?id=287 24 25 ibid 33 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits f Nicor Gas’ Legacy Additionally, Nicor Gas has benefited from a customer service and customer relationship standpoint Overall, Nicor Gas found that the implementation of a payment reporting system... unsatisfied with reporting Table D: Level of Satisfaction from Reporting Experience Number of Respondents Level of Satisfaction Very Satisfied 2 Somewhat Satisfied 5 Neutral/Mixed 2 Somewhat Unsatisfied 0 Very Unsatisfied 0 Source: PERC 2008 Data Furnisher s Survey Responses 23 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits c The Benefits Since one of... positive and negative account information) to a bureau, with the two remaining companies supplying only negative information to one or more of the bureaus However, this may be somewhat at odds 19 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits with utility data furnishers in general A major bureau reported to us that only about one-quarter... announcements on television and/ or radio 29% Customers given special notice when they first sign up 43% 0% Other Source: PERC 2008 Data Furnisher s Survey Responses 29 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits Of these five methods of communication shown above, most companies utilized several, as shown below Table J: Methods of Communication Number... Equifax 17 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benefits eligibility and whether or not a security deposit will be required Still, others report late payments and charge-off information to credit bureaus indirectly through collection agencies Around 22% (10/69) of respondents indicated that their firms reported delinquencies and defaults... companies reporting minimal or no costs (costs less than 5% of the IT budget) Four out of these five companies were reported to have 1-10 million customers, with the remaining having less than one million customers And it is interesting to note that the smaller company was in the minimal/no cost fixed IT cost category 27 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher . information to consumer reporting agencies.” Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benets 14 Litigation—Currently, data furnishers. cit. Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benets 16 prole with the data furnisher s interest in receiv- ing on- time and sucient payments 64 Credit Reporting Customer Payment Data: Impact on Customer Payment Behavior and Furnisher Costs and Benets 6 Executive Summary and Key Findings is report examines the perceived and actual costs

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